8. Kalyani Barter Private Limited
vs. ITO (Kolkata)
Members: Waseem Ahmed (A. M.) S.S.Viswanethra Ravi (J. M.)
I .T.A. No.: 824 / Kol / 2015.
A.Y.: 2010-11. Date
of Order: 3rd March, 2017
Counsel for Assessee / Revenue:
Subash Agarwal / Tanuj Neogi
FACTS
The assessee is engaged in the business of trading in shares
& securities. During the year the
assessee had earned dividend income of Rs. 0.41 lakh. In his assessment order
passed u/s. 143(3) the AO disallowed the following sum u/s. 14A read with rule
8D:
– Direct expenses Rs. 3.08 lakh;
– Interest expenses Rs. 34.42 lakh; and
– Administrative expenses Rs. 2.4 lakh
(restricted to actual expense incurred).
On appeal, the CIT(A), relying on the decision of DCIT vs.
Gulshan Investment Company Ltd. (31 taxman.com 113) (Kol), deleted the
addition made by the AO under the provisions of rule 8D(2)(ii) and (iii) by
observing that the assessee is engaged in the business of shares trading and
the shares were classified as stock in trade in its books of accounts.
Therefore, according to him, the assessee was entitled for the deduction of
interest expenses and administrative expenses.
Before the Tribunal the revenue relied on CBDTs Circular No.
5/2004 dated 11.02.2014, wherein it has been clarified and emphasized that
legislative intent behind introduction of section 14A is to allow only that
expenditure which is relatable to earning of income. Therefore, the revenue contended that the
expenses, which are relatable to exempt income, are to be considered for
disallowance. Thus, according to the revenue, the disallowance of expenses was
required u/s. 14A of the Act even in relation to the investment held as stock
in trade.
The assessee on the other hand, without prejudice to his main
argument and as an alternative, contended that the disallowance u/s. 14A had
been wrongly worked out by the AO under Rule 8D by taking the entire value of
stock-in-trade, instead of taking the value of only those shares, which
actually yielded dividend income during the year under consideration
HELD